Abstract
Abstract THE first part of this book is devoted to the legal position of a domestic currency within the sphere of its own domestidaw (e.g. Eng1ish money in England under English law). The second part, on which we are now entering, deals with the position of a currency other than that of the given country, within the sphere of such country’s private international and municipal law (e.g. French currency in England). But the case of a sum of English money payable under an obligation governed by a foreign law (e.g. pounds sterling under a French contract) is nowhere treated in the present work.
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